Latest Newsflashes
Jul 15, 2025MiCA | Recent ESMA Developments
Since our last newsletter, ESMA has released updated Q&A s, supervisory guidelines, a peer review, further guidelines on staff competence, and a public statement – all regarding the implementation of Regulation (EU) 2023/1114 of 31 May 2023 on markets in crypto-assets (“ MiCA”). Supervisory
Jul 15, 2025Listing Act | Various developments
Further to the entry into force of the Listing Act , ESMA published various final reports providing technical advice and updated its Q&As. These include: ESMA's final report on the technical advice concerning MAR and MiFID II SME growth markets ESMA's final report on the technical advice concerning
Jul 14, 2025Double tax treaty I Luxembourg – Oman: Legislative update
On 16 October 2024, the Grand Duchy of Luxembourg and the Sultanate of Oman signed a convention for the elimination of double taxation with respect to taxes on income and on capital and the prevention of tax evasion and avoidance (the “ DTT”). For more information, please refer to our previous
Jul 10, 2025Tax measures in favour of the Luxembourg real estate sector I Legislative update
The l aw of 22 May 2024 provided for both short term tax measures (applicable for fiscal year 2024) in favour of the Luxembourg real estate market and long term tax measures applicable as from 2025 (please refer to our previous newsflash). To support the ongoing recovery of the real estate sector
Jul 09, 2025Investment funds non-authorised | New CSSF Circular 25/894
Background On 27 June 2025, the new circular Circular CSSF 25/894 – Information to be submitted to the CSSF in relation to investment funds non-authorised by the CSSF (the “ Circular”) entered into force . The Circular focuses on transparency, risk assessment, and oversight of investment funds that
Jul 09, 2025VEFA rental properties I Extension of the depreciation regime
On 30 June 2025, the government issued a Grand-Ducal Regulation aiming at amending the existing Grand-Ducal Regulation of 19 November 1999 implementing Article 106, paragraphs 3 and 4 of the Luxembourg income tax law (“ LITL”), which provides the depreciation regime and rates applicable to rental
Pagination